Question
Question 1 Which of the following is an incorrect statement regarding the tax consequences of a 306 stock disposition? In a sale of 306 stock,
Question 1
Which of the following is an incorrect statement regarding the tax consequences of a 306 stock disposition?
In a sale of 306 stock, the shareholder generally recognizes ordinary income equal to the fair market value of the preferred stock on the date it was acquired in the stock dividend. | ||
No loss is recognized on a sale of 306 stock. | ||
The issuing corporations E & P is not reduced by a sale of 306 stock. | ||
In a redemption of 306 stock, the shareholder generally recognizes dividend income equal to the amount of the redemption proceeds. | ||
None of the above. |
20 points
Question 2
Which of the following statements is correct with respect to a partial liquidation?
The genuine contraction of a corporate business requirement is an objective test that taxpayers can rely upon with certainty. | ||
The distribution of proceeds from the sale of excess inventory to shareholders in exchange for part of their stock will not satisfy the not essentially equivalent to a dividend test. | ||
A stock redemption pursuant to a partial liquidation cannot be pro rata with respect to the shareholders. | ||
The termination of a business test requires that the distributing corporation actively conducted at least three trades or businesses for at least five years. | ||
None of the above. |
20 points
Question 3
Seven years ago, Eleanor transferred property she had used in her sole proprietorship to Blue Corporation for 2,000 shares of Blue Corporation in a transaction that qualified under 351. The assets had a tax basis to her of $400,000 and a fair market value of $700,000 on the date of the transfer. In the current year, Blue Corporation ( E & P of $1 million) redeems 600 shares from Eleanor for $260,000 in a transaction that qualifies for sale or exchange treatment. With respect to the redemption, Eleanor will have a:
$140,000 dividend. | ||
$260,000 dividend. | ||
$140,000 capital gain. | ||
$260,000 capital gain. | ||
None of the above. |
20 points
Question 4
The Code treats corporate distributions that are a return of a shareholders investment as sales or exchanges and corporate distributions that are a return from a shareholders investment as dividends.
True
False
20 points
Question 5
In comparing a qualifying stock redemption with a complete liquidation, which of the following statements is incorrect?
Liquidations and qualifying stock redemptions parallel each other in terms of the effect that E & P has on the nature of the gain or loss recognized by the shareholder. | ||
The basis of property acquired is its fair market value on the date of distribution for both a qualifying stock redemption and a liquidation. | ||
Both a qualifying stock redemption and a complete liquidation produce sale or exchange treatment to the shareholder. | ||
A corporation will recognize gain upon the distribution of appreciated property for both a qualifying stock redemption and a complete liquidation, but a corporation will recognize loss upon a distribution of depreciated property only for a liquidating distribution. | ||
Section 267 disallows recognition of losses between related parties in a complete liquidation but not in a qualifying stock redemption. |
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